Comment Letters
Our Public Policy team regularly submits comment letters to federal and state entities on a broad range of health care topics. Read our most recent comment letters below.
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NCQA Comments on Medicare Advantage
The National Committee for Quality Assurance shares recommendations with CMS on how to advance health equity, expand access in coverage and care, and drive innovation to promote person-centered care.
NCQA Comments on CY 2023 Home Health Prospective Payment System Proposed Rule
The National Committee for Quality Assurance (NCQA) thanks you for the opportunity to comment on the CY 2023 Home Health Prospective Payment System Proposed Rule.
NCQA Comments on HHS Initiative to Strengthen Primary Health Care
NCQA is pleased to provide the following comments to guide HHS OASH efforts in strengthening primary care across the nation.
NCQA Comments on CMS’s 2023 Hospital Inpatient Prospective Payment System Proposed Rule
NCQA is pleased to provide comments on CMS’s considerations for the future of digital quality measurement and principles for measuring health care disparities across CMS quality programs.
NCQA Comments on ONC’s USCDI Draft v3
NCQA is pleased to provide comments on the proposals and considerations outlined for USCDI version 3.
NCQA Comments on AHRQ Proposed Strategic Framework
NCQA is pleased to provide comments on the strategic framework to guide AHRQ’s PCORTF investments.
NCQA Responds to CMS’s 2023 Medicare Advantage Advance Notice
NCQA provides CMS feedback on promoting electronic clinical data for quality reporting for Star Ratings
NCQA Responds to the Senate HELP Committee’s PREVENT Pandemics Act Discussion
NCQA urges Congress to modernize exchange of electronic health information to prepare for future pandemics
NCQA Comments on Proposed 2023 ACA Exchange/Marketplace Rules
NCQA provides CMS feedback on requiring Health Equity Accreditation for Exchange Issuers
NCQA Comments on CMS RFI to Transition to All Digital Quality Measures (dQMs) by 2025
NCQA is proud to share the following steps we have taken (and the steps we plan to take) to drive quality measurement toward a digital future—we believe many of these steps align closely with the vision described in the RFI and should contribute to CMS’s goal of fully digital reporting by 2025.
NCQA Comments on CMS Proposed Prior Authorization Rule
NCQA supports proposals to streamline prior authorization, electronic data sharing, and standards for electronic exchange of social risk data.
NCQA Response to RFI ON Leveraging Technology for Chronic Disease Management
NCQA describes how moving to digital quality can help leverage technology to improve chronic care management for older, underserved adults.